Apple faces having to pay billions of euros in back taxes to Ireland if a probe by the European Commission declares the company’s tax arrangements with the Irish government are illegal.

The final ruling is expected today and if the commission’s position is upheld, the record repayment sum is expected to spark one of the world’s largest tax battles along with an international dispute over the commission’s role and authority.

Apple’s tax arrangements in Ireland are based on an agreement drawn up in 1991, when Apple was struggling against the PC boom, and another in 2007, which allowed the company to pay just four per cent tax on almost $200bn of profits over a 10 year period.

According to EU law, such tax benefits for a selected company amount to illegal state aid.

Apple and the Irish government are likely to appeal the ruling.

Around 90 per cent of Apple’s foreign profits are earned by Irish subsidiaries, the Financial Times reports, and the company’s total $187bn in cash it holds in Ireland is the largest foreign cash pile held by any US multinational.

The European Commission says the tax arrangements gave Apple an unfair advantage that distorted competition.

No figure has yet been given as to how much money Apple may be forced to pay in back taxes, but EU competition commissioner Margrethe Vestager is expected to give an estimate on Tuesday.

Analysts have provided a range of estimates. According to JPMorgan’s Rod Hall, a “worst-case scenario” could mean Apple may face a $19bn bill.

Comparable Rulings
A precedent for such repayments has already been set (albeit on a smaller scale) after the commission ordered the Netherlands to claw back €30m (£25.6m) from Starbucks last year, and Luxembourg was ordered to recover a similar sum from car manufacturer Fiat as the commission cracked down on so-called ‘sweetheart’ tax deals.

In January, The commission ordered Belgium to recover about 700 million euros in what it called illegal tax breaks from at least 35 companies, including Anheuser-Busch InBev NV and BP Plc, according to Bloomberg.

There are also ongoing investigations into Luxembourg’s tax arrangements with McDonalds and Amazon.com.

US response

The US government has strongly criticised the probes into American multinational firms by the EU.

The US Treasury Department said the action by the European Commission along with the penalties it was issuing to firms were “deeply troubling”, and accused the commission of becoming a “supra-national tax authority”, the BBC reports.

The US government has strongly criticised the probes into American multinational firms by the EU.

The US Treasury Department said the action by the European Commission along with the penalties it was issuing to firms were “deeply troubling”, and accused the commission of becoming a “supra-national tax authority”, the BBC reports.

Apple faces having to pay billions of euros in back taxes to Ireland if a probe by the European Commission declares the company’s tax arrangements with the Irish government are illegal.

The final ruling is expected today and if the commission’s position is upheld, the record repayment sum is expected to spark one of the world’s largest tax battles along with an international dispute over the commission’s role and authority.

Apple’s tax arrangements in Ireland are based on an agreement drawn up in 1991, when Apple was struggling against the PC boom, and another in 2007, which allowed the company to pay just four per cent tax on almost $200bn of profits over a 10 year period.

According to EU law, such tax benefits for a selected company amount to illegal state aid.

Apple and the Irish government are likely to appeal the ruling.

Around 90 per cent of Apple’s foreign profits are earned by Irish subsidiaries, the Financial Times reports, and the company’s total $187bn in cash it holds in Ireland is the largest foreign cash pile held by any US multinational.

The European Commission says the tax arrangements gave Apple an unfair advantage that distorted competition.

No figure has yet been given as to how much money Apple may be forced to pay in back taxes, but EU competition commissioner Margrethe Vestager is expected to give an estimate on Tuesday.

Analysts have provided a range of estimates. According to JPMorgan’s Rod Hall, a “worst-case scenario” could mean Apple may face a $19bn bill.

Comparable Rulings
A precedent for such repayments has already been set (albeit on a smaller scale) after the commission ordered the Netherlands to claw back €30m (£25.6m) from Starbucks last year, and Luxembourg was ordered to recover a similar sum from car manufacturer Fiat as the commission cracked down on so-called ‘sweetheart’ tax deals.

In January, The commission ordered Belgium to recover about 700 million euros in what it called illegal tax breaks from at least 35 companies, including Anheuser-Busch InBev NV and BP Plc, according to Bloomberg.

There are also ongoing investigations into Luxembourg’s tax arrangements with McDonalds and Amazon.com.

US response

The US government has strongly criticised the probes into American multinational firms by the EU.

The US Treasury Department said the action by the European Commission along with the penalties it was issuing to firms were “deeply troubling”, and accused the commission of becoming a “supra-national tax authority”, the BBC reports.